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The newest positions across every file we track, most recent first. Latest on record: 30 Aug 2026.

  1. 29 August 2026 Position EISAP – Ship Recycling: On the current draft update of the EU list of approved recycling sites according to EU Ship Recycling Regulation ((EU) 1257/2013) and replacement of Annex to Implementing Decision (EU) 2016/2323. Members of EISAP are European and international shipowners with at least one ship of their fleet registered in Madeira and operating under the flag of Portugal.

  2. The European Environment Agency (EEA) and EIONET provide clear European added value by creating a common evidence base for environmental policy and improving comparability between countries. Their role is increasingly important as biodiversity loss, climate change, invasive alien species and other environmental pressures require information that is scientifically robust, accessible and available quickly enough to…

  3. The NGO Shipbreaking Platform, a global coalition of human rights and environmental organisations, works to ensure safe and environmentally sound ship recycling world-wide. We welcome the opportunity to contribute to this public consultation and call on the European Commission to hold facilities in third countries accountable to the same standards as those applicable in the EU.

  4. Specific proposals for fixing fishing opportunities for 2027 1. A PAF-specific Omnibus regulation should be adopted immediately, within a deadline compatible with the December AGRIFISH Council, so that its corrections can be effective before the fixing of the 2027 fishing opportunities. 2.

    Filed in Spanish · English published by the European Commission

  5. The Europe India Centre for Business & Industry (EICBI) welcomes the European Commissions evaluation of Regulation (EU) 2021/821, which governs the export, brokering, technical assistance, transit and transfer of dual-use items.

  6. Contribution from ADi Professional Standards for Teachers Promoting the European and International Dimension as Associazione Docenti e Dirigenti Scuola Italiane (ADi), which has been active for years in educational innovation, vocational training and the European dimension of education, we would like to contribute to the second pillar of the consultation, Excellence through a supported and valued teaching…

    Filed in Italian · English published by the European Commission

  7. NABU (Naturschutzbund Deutschland) e.V. is grateful for the opportunity to comment on the draft implementing decision. NABU opposes the inclusion of the Indian ship recycling facilities YSI Recyclers LLP and Shree Ram Vessel Scrap Pvt. in the 16th EU list of ship recycling facilities.

    Filed in German · English published by the European Commission

  8. ODNV is a French cooperative comprising egg packing centres which pack and pack eggs from hens born and reared in France, including organic eggs collected from almost 200 breeders. The most recent European legislation, which came into force in 2022, has had a disproportionate negative impact on the production of organic laying hens and eggs due to a large number of constraints.

    Filed in French · English published by the European Commission

  9. Copa and Cogeca welcome the Commission's initiative to address the continuation of the authorisation for the use of a limited proportion of non-organic protein feed in organic pig and poultry production beyond 31 December 2026. The insufficient availability of suitable organic protein feed remains a significant challenge for organic livestock producers across the EU.

  10. The Eggs section of the UGPVB, which represents egg producer organisations in the Grand Ouest of France, France’s largest production region, supports maintaining the possibility of using, under the conditions laid down in the draft delegated regulation, a limited proportion of non-organic protein raw materials in the labelling of organic poultry.

    Filed in French · English published by the European Commission

  11. The Council of Gas Detection and Environmental Monitoring (CoGDEM EU) wishes to submit the attached joint position paper (published earlier this year together with all co-signatories) on the forthcoming Housing Simplification Package.

  12. Shark Trust Feedback for Sustainable fishing in the EU: State of play and orientations for 2027 Corresponding author: [name removed] | Shark Trust Fisheries Officer | [email removed] Elasmobranchs – sharks, skates and rays – are a complex and diverse subclass of Chondrichthyes, the cartilaginous fishes. Elasmobranchs represent over 1200 described species. Some seen as wildlife: e.g.

  13. Coldiretti, the largest organisation representing farmers and fishers in Italy and Europe, with its 1.6 million members, welcomes the European Commission’s initiative to gather input on ‘Sustainable fishing in the EU: State of play and orientations for 2027. See detailed position paper attached.

    Filed in Italian · English published by the European Commission

  14. EFPIA supports the Commissions objective of preventing designer precursors from being used for the illicit manufacture of drugs and acknowledges the need for effective and proactive controls. At the same time, the proposed scheduling of 148 substances as Category 1 precursors should be implemented in a way that avoids unintended barriers to legitimate pharmaceutical research and development.

  15. In pharmaceutical research, a large number of substances are used in the synthesis of drug candidates. Many of the substances used for the synthesis of drug candidates can also potentially be used to synthesize narcotic drugs. In some Member States, applications for authorization to handle substances classified as drug precursors must be submitted annually.

  16. Fecc notes the European Commission initiative that would include additional drug precursors in the list of controlled substances used in the production of illicit drugs - specifically targeting substances that can only be used for drug production, known as designer precursors - and welcomes the opportunity to provide feedback (see file attached).

  17. The World Federation of Exchanges (WFE) position in response to the European Commission's consultation on its Communication on the Competitiveness of the Banking Sector and the Single Market in Banking, published on 17 July 2026, is set out in the attached document.

  18. The Confederation of Swedish Enterprise welcomes the Commission’s ambition to strengthen Europe’s competitiveness, innovation capacity and resilience in the semiconductor sector. Semiconductors are a fundamental enabling technology for large parts of European industry and a well-functioning semiconductor supply is important for both digitalisation and the green transition.

    Filed in Swedish · English published by the European Commission

  19. In general, the Czech Republic welcomes the direction of the proposed revision of the EU ETS, which reflects some of the long-standing requirements of the Member States and the energy sector, in particular maintaining the important role of free allocation, adjusting the functioning of the MSR and easing the pace of the reduction of the cap.

    Filed in Czech · English published by the European Commission

  20. CCTC contribution to the European Commission’s Have Your Say consultation on the implementing act concerning national producer registers under Regulation (EU) 2025/40 The Croatian Chamber of Trades and Crafts (CCTC), representing more than 148,000 Croatian crafts and small businesses, welcomes the Commission’s objective of establishing harmonised, interoperable and machine-readable formats for registration in and…

  21. The Computer & Communications Industry Association (CCIA Europe) and CCIAs Space & Spectrum Policy Center welcome the opportunity to provide feedback to the European Commissions consultation to develop a common EU position for the upcoming World Radiocommunication Conference 2027 (WRC-27).

  22. I believe that cultural heritage (CH) should be seen not just as a sector that benefits from AI or provides valuable training data, but also as a domain of scientific knowledge with its own ways of working and specific needs. The Call for Evidence highlights the importance of fair access to high-quality data and points to the common European data space for CH as a key resource for AI training.

  23. The new EU Strategy on Victims’ Rights should take into account the situation of child victims of crime, in particular violence and sexual exploitation. The needs of the child and the way they experience harm are different from those of an adult. The protection and justice system should therefore be adapted to the age and development of the child.

    Filed in Polish · English published by the European Commission

  24. As a small business, we recognise the importance of EU regulations in bringing fairness and reducing barriers to trade, not just for big corporations, but also for small businesses like ours. Therefore our overarching feedback is that the implementing rules should ensure compliance costs are proportionate for micro and small businesses placing only small quantities of packaging on the market.

  25. COGEN Europe welcomes the opportunity to provide feedback on the European Commissions Proposal for the Revision of Network code on requirements for grid connection of generators (NC RfG 2.0). Cogeneration solutions (also known as combined heat and power or CHP) are recognised throughout EU and national legislation as key for energy efficiency, decarbonisation, energy affordability and industrial competitiveness.

  26. ASEALEN, the Spanish Energy Storage Association, is a non-profit association representing companies linked to the development, promotion, investment, manufacturing, integration and operation of energy storage projects.

    Filed in Spanish · English published by the European Commission

  27. The ZVEI welcomes the fact that, with this draft update to the Network Code on Requirements for Grid Connection of Generators (NC RfG (EU) 2016/631), the European Commission is defining harmonised and definitive requirements for grid-connected electric vehicles. This lays the foundation for a uniform, Europe-wide certification of vehicles.

  28. The spark starts with a person, not a mandate. AI is reshaping the world that students are entering. The question isn't whether they'll use it, it's whether they'll know how to think about it: how to understand, direct, question, and create with the technology shaping their world. Its the kind of thinking thats built on computer science, AI science, and data science. So, what's being done about it?

  29. Nexperia B.V. is a semiconductor manufacturer. Our packaging is industrial and goes into business-to-business channels. We support a single harmonised format. The points below are where the draft creates recurring work without better data. 1.

  30. Stellungnahme Zum Entwurf der Durchführungsverordnung – Ares (2026)7374948 zu Hochrisikoprodukten Der BÖLW begrüßt grundsätzlich eine risikoorientierte Bio-Kontrolle. Allerdings kritisieren wir, dass die Kriterien für die Festlegung von Hochrisikoprodukten nicht transparent und auch nicht sachlich nachvollziehbar sind. Das ist aber der entscheidende Punkt für eine Risikobewertung.

    Filed in German · English published by the European Commission

  31. Eurodom welcomes the principle of this project, which for the first time identifies organic risk product/third country combinations and applies reinforced controls, including prior to export. Eurodom reiterates, however, its opposition in principle to maintaining the equivalence regime for the recognition of third-country organic production rules, and its request for a transition to a compliance regime, which is the…

    Filed in French · English published by the European Commission

  32. COLEAD RESPONSE TO CALL FOR FEEDBACK ON HIGH-RISK ORGANIC AND IN-CONVERSION PRODUCTS FROM NON-EU COUNTRIES – DETAILED LIST (Ares(2026)7374948) Brussels, 24 August 2026 The Committee Linking Entrepreneurship-Agriculture-Development (COLEAD) thanks the European Commission for the opportunity to comment on this draft Regulation on behalf of our members.

  33. European Digital Rights (EDRi) welcomes the opportunity to submit its analysis of the implementation of the Law Enforcement Directive (LED), based on independent research conducted in five Member States (Bulgaria, France, Germany, Greece and Slovenia).

  34. This joint contribution is submitted by ACEA, the European Automobile Manufacturers Association, and CLEPA, the European Association of Automotive Suppliers. Together, we represent the European automotive value chain and are committed to advancing clean, smart and safe mobility.

  35. The new Victims Rights Strategy should support the effective operationalisation of Member States obligations under the Directive on Victims Rights and Directive 2024/1385, to ensure access to comprehensive and quality sexual and reproductive healthcare services to victims of sexual violence.

  36. Each year, over 250 000 children are reported missing in Europe one child disappearing every two minutes. Children go missing for a wide range of reasons, including violence, harassment, conflicts, abuse, and exploitation. The effects are far-reaching, not only for the missing children themselves but also for their families and communities, often resulting in long-term trauma and broader societal consequences.

  37. Bisphenols Europe appreciates the opportunity to comment on the draft Commission Delegated Regulation amending Regulation (EU) No 649/2012 as regards the listing of pesticides and industrial chemicals. We support the objectives of the PIC Regulation and the Rotterdam Convention to promote shared responsibility and informed decision-making in the international trade of hazardous chemicals.

  38. Beitrag zur öffentlichen Konsultation zur Änderung von Anhang I der PIC-Verordnung (EU Nr. 649/2012) Die Aufnahme von Borsäure sowie Natriumboraten ist unnötig und gefährdet die Ernährungssicherheit Die vorgeschlagene Aufnahme von Borsäure sowie Boratsalzen in Anhang I Teil 1 dient nicht dem Zweck der PIC-Verordnung.

    Filed in German · English published by the European Commission

  39. CONSULTATION INPUT AUGUST 2026 CASG, a Cefic sector group representing MCCP (medium chain chlorinated paraffins) EU manufacturers, welcomes the opportunity to contribute to the open consultation on the inclusion of substances in the Annexes of Regulation (EU) No 649/2012 concerning the export and import of hazardous chemicals (PIC). The following key points have been identified by the group: 1.

  40. The Europe India Centre for Business & Industry (EICBI) welcomes the European Commissions initiative to enable relevant authorities in non-EU countries to participate in the Electronic System for Agricultural Non-Customs Formalities (ELAN). The initiative is particularly relevant to India given the growing scale of EU India agricultural trade.

  41. The Europe India Centre for Business & Industry (EICBI) welcomes the European Commissions initiative to enable relevant authorities in non-EU countries to participate in the Electronic System for Agricultural Non-Customs Formalities (ELAN). The initiative is particularly relevant to India.

  42. YouthProAktiv welcomes the development of the EU Teachers Agenda and the stronger attention being given to the attractiveness and future of the teaching profession. Teachers are at the centre of quality education, but across Europe many are facing growing workloads, staff shortages, limited career progression and increasingly complex classroom realities.

  43. YouthProAktiv welcomes the European Commissions initiative to strengthen basic skills and improve educational performance across Europe. We believe this is an important priority, especially at a time when many young people are facing growing inequalities, rapid technological change and increasing uncertainty about their future.

  44. YouthProAktiv welcomes the development of a dedicated European strategy on artificial intelligence for the cultural and creative sectors. AI is already changing the way cultural content is created, distributed and accessed, and it is important that Europe approaches this transformation in a way that supports innovation while protecting human creativity, cultural diversity and the rights of creators.

  45. Overall we agree broadly with the issues identified; these are the cogent challenges facing the EITs. We recommend (focused on life sciences but generally applicable): 1. make EITs less inward-looking: by making the EIT eco-system a visible and accessible value chain mandated to support all-comers with promising technologies. If this was already the case, it was not adequately visible 2.

  46. The evolution from FADN to FSDN is very positive, and we hope it will help track the efficiency of CAP fund spending. As BeeLife, we have attached our contribution, and we would like to invite the Commission to implement the Pollinator Index within the FSDN. Pollinator Index is more than monitoring just the abundance and richness of pollinators.

  47. YouthProAktiv welcomes the evaluation of the Council Recommendation on individual learning accounts. In a labour market shaped by digitalisation, the green transition and changing skills needs, access to continuous learning is increasingly important.

  48. It is important to have a strong level of data protection in relation to law enforcement A balance has to be struck with the protection of society at large and police officers in particular: Strong data protection and effective policing are not competing objectives.

  49. Tata Consultancy Services (TCS) strongly supports the European Commission's expansion of the Farm Sustainability Data Network (FSDN) and views it as an important step toward creating a more comprehensive, evidence-based approach to agricultural sustainability.

  50. Banco Santander welcomes the European Commissions Communication on the competitiveness of the banking sector and the Single Market in banking. It provides a useful foundation for strengthening Europes banking sector while safeguarding financial stability. We particularly welcome the Commissions call for a more proportionate, risk-based and economically grounded approach to regulation and supervision.

  51. EENA Consultation Response: Authorisation of Systems Providing MSS Services Over the Harmonised 2 GHz Frequency Band EENA welcomes the proposal’s commitment to improving connectivity for critical communications, and support for the development of European secure Mobile Satellite Spectrum (MSS)/Hybrid systems. However, it is equally important that this proposal addresses emergency communications for the public.

  52. Glass for Europe welcomes the opportunity to comment on this draft delegated act on declaration without testing of reaction to fire. Considering that Article 1 offers a clear set of provisions to address building glass products, Glass for Europe recommends deleting the Notes for the material "Glass" in Table 1 of the Annex ("Including heat strengthened, chemically toughened, laminated and wired glass").

  53. The draft raises issues of critical concern for the European aviation industry. Commercial airlines have been strictly regulated under the well-established EU ETS1 system (Annex I of the Directive) since 2012. The introduction of ETS2 for the transport sector must not - under any circumstances - result in uncoordinated carbon cost pass-through by fuel suppliers, market fragmentation, or severe administrative…

  54. Fecc welcomes the opportunity to provide feedback on the Commissions initiative on financial compensation under the EU Emissions Trading System for buildings and road transport (ETS2). While supporting the EUs climate objectives and the role of carbon pricing in the green transition, Fecc highlights the need for the financial compensation framework to adequately consider the indirect cost impacts on downstream…

  55. Alegaciones CRECEMOS al proyecto de Reglamento de Ejecución sobre compensación financiera en el Régimen de comercio de derechos de emisión de la UE (ETS2) 1. Valoración general La asociación multisectorial CRECEMOS (Combustibles Renovables y Economía Circular en España para una Movilidad Sostenible) representa los combustibles renovables materias primas a la cadena de valor de en España, incluyendo entre otros los y…

    Filed in Spanish · English published by the European Commission

  56. The Port Authority of Valencia welcomes the opportunity to provide comments on the proposed update of the list of neighbouring container transhipment ports amending Implementing Regulation (EU) 2023/2297. The Port Authority of Valencia fully supports the European Union's climate ambitions and the inclusion of maritime transport within the EU Emissions Trading System.

  57. The Port Authority of Valencia welcomes the opportunity to provide comments on the proposed update of the list of neighbouring container transhipment ports established amending Implementing Regulation (EU) 2025/1127.

  58. The EU's regulatory framework for environment and land use (SEA/EIA Directives, the Nature Restoration Law, and the Soil Monitoring Law) was designed with legitimate environmental goals in mind. However, as currently drafted and implemented, these frameworks impose overlapping assessments, rigid principles, and disproportionate administrative burdens on the construction sector.

  59. ESPO Feedback EU Emissions Trading System (ETS) – Update to the List of Neighbouring Container Transhipment Ports The European Sea Ports Organisation (ESPO) welcomes the Commission’s proposal to expand the list of neighbouring container transhipment ports by adding Abu Qir and Damietta alongside Tanger Med and East Port Said.

  60. Badische Stahlwerke (BSW), as an EAF-based producer of long steel products, supports the objectives of the ESPR to improve transparency, strengthen circularity and create demand for lower-carbon steel. In designing future requirements, it is important to recognise that scrap-based EAF steelmaking already represents an established circular and comparatively low-carbon production route at industrial scale.

  61. We thank the European Commission for the opportunity to comment on this Call for Evidence on the ESPR Delegated Act on iron and steel products. We support prioritising iron and steel under the ESPR Working Plan and aligning this Act with the Steel and Metals Action Plan and the Industrial Accelerator Act (IAA).

  62. The Near Zero Emission Steel (NZES) coalition welcomes the Commission's efforts to support a more com-petitive, sustainable and circular European steel industry by preparing to define performance classes for low-carbon steel under the Ecodesign for Sustainable Products Regulation (ESPR).

  63. The House of the Dutch Provinces (HNP), het Interprovinciaal Overleg (IPO) and the Vereniging van Nederlandse Gemeenten (VNG) call for a targeted European simplification agenda for affordable housing. Simplifying and clarifying EU legislation can increase investment capacity, shorten procedures and facilitate innovative solutions.

  64. The European Dockworkers Council (EDC) welcomes the inclusion of two new ports on the list of of neighboring transhipment ports. However, EDC considers that the current proposal remains insufficient to prevent traffic leakage to ports outside the EU in the context of the EU ETS for maritime transport and FuelEU Maritime.

  65. Warszawa, 12 sierpnia 2026 r. Stanowisko w ramach konsultacji dot. projektu rozporządzenia wykonawczego Komisji (UE) …/… zmieniającego rozporządzenie wykonawcze (UE) 2024/2746 ustanawiające zasady stosowania rozporządzenia Rady (WE) nr 1217/2009 ustanawiającego sieć zbierania danych rachunkowych o dochodach i działalności gospodarczej gospodarstw rolnych (Farm Sustainability Data Network, FSDN) Sygnatura dokumentu…

    Filed in Polish · English published by the European Commission

  66. DI Construction thanks the Commission for the opportunity to comment on the draft delegated act supplementing Regulation (EU) 2024/3110 by laying down conditions for classification without testing of certain products as regards reaction to fire performance.

  67. The European Dockworkers Council (EDC) welcomes the inclusion of two new ports on the list of of neighboring transhipment ports. However, EDC considers that the current proposal remains insufficient to prevent traffic leakage to ports outside the EU in the context of the EU ETS for maritime transport and FuelEU Maritime.

  68. -Full contribution in annex- The 10th Report on Economic, Social and Territorial Cohesion coincides with negotiations for the next Multiannual Financial Framework (MFF). We consider the proposals for the next MFF counterproductive to EU cohesion and stability, putting CPMR member-regions at risk.

  69. The data presented in this document confirm that Romania remains a reference case for the debate on the future of cohesion policy: an apparent success story in aggregate at national level, which nonetheless conceals persistent, and in some respects widening, internal territorial divergence.

  70. Minha Terras contribution to the European Commissions 10th Report on Economic, Social and Territorial Cohesion in the EU argues that Portugals experience with Community-Led Local Development (CLLD) during the 20142020 programming period demonstrates the strong value of locally led, multi-funded/multi-policy territorial approaches for reducing disparities and strengthening cohesion.

  71. Please find here below INDICAM's observations on the Commission's proposal for a Regulation establishing a framework of measures for strengthening Europe's cloud and AI ecosystem (the "Cloud and AI Development Act"), prepared in the interest of our associates — brand owners and rights holders active in anti-counterfeiting and IP enforcement who increasingly rely on cloud infrastructure and AI tools for online brand…

  72. Introduction: The European Association of Chemical Distributors (Fecc) supports the EU's climate goals but urges the Commission to align CBAM certificate rules with business realities. Our key recommendations, detailed in our attached paper, are: - Coherent Rollout: All Member States must implement the rules simultaneously to avoid administrative friction and market fragmentation.

  73. VDMA represents around 3,500 member companies of the mechanical and plant engineering industry in Germany and Europe. As many machinery manufacturers rely on globally integrated supply chains and import CBAM-covered materials and components, the practical implementation of CBAM is of significant importance to our industry.

  74. Gerber Steel GmbH, a medium-sized importer and authorised CBAM declarant, submits the attached detailed statement on the draft Delegated Regulation on the sale and repurchase of CBAM certificates and urges the Commission to read it in full.

  75. CEOE fully endorses the European Unions objectives regarding lifelong learning, employability and the adaptation of skills to the digital, green and demographic transitions. Lifelong learning is an essential tool for enhancing peoples opportunities, promoting professional mobility and contributing to a more productive, competitive and inclusive economy.

  76. Seravon Labs LLC (Wyoming, United States), operating through Veridex Carbon, is establishing a climate-adaptive livestock and carbon farming operation in Extremadura, Spain. The operation involves potential cross-border movement of ovine genetic material (semen) from non-EU countries (Egypt, South Africa) to EU territory, as well as future export of CRCF-certified carbon farming products within the EU single market.

  77. The Association welcomes the European Biotech Act I and strongly supports the objective of making Europe the world’s most attractive location for research, development, clinical trials, manufacturing and scaling of biotech innovations. It is crucial to create a coherent, reliable and internationally competitive framework along the entire value chain.

    Filed in German · English published by the European Commission

  78. Feedback on the Proposal of the European Biotech Act I Future Affairs Consulting welcomes the proposal and, in particular, the extension of EFSA's role and strongly supports the introduction of structured pre-submission advice for applicants. This is a much needed regulatory change. However, we suggest the following changes. 1. Biosecurity should expressly include the security of the food-and-feed supply chain 2.

  79. EPODIN European Patient Organisation for Dysimmune Inflammatory Neuropathies welcomes the European Commission's proposal for an EU Biotech Act as a timely and ambitious initiative to strengthen Europe's biotechnology ecosystem, enhance its global competitiveness and ensure that scientific excellence translates into faster development, availability and equitable access to innovative medicines for all European…

  80. Digital Networks Act Video Games Europe is the trade federation representing the video game sector in Europe. Over 110.000 people currently work in the video games sector in Europe, and game development has been recognised by the European Parliament as one of the key sectors to the digital economy in the EU.1 In Europe the sector is mostly composed of SME’s, whose games which are enjoyed worldwide across multiple…

  81. As regards your concept of lifelong learning for adults, we find this idea interesting, but we do not consider it as extraordinary: 1. Discrimination: in practice, this idea discriminates against the very people you want to prepare for a constantly evolving labour market. The roadmap presented focuses on courses for professional development and retraining with a maximum duration of 12 months.

    Filed in Romanian · English published by the European Commission

  82. We very much welcome the aim of the Commission’s proposal to simplify the MDR/IVDR without compromising the level of protection of patient safety and public health. From the point of view of academic research, university medicine and publicly funded collaborative research, it is crucial that the planned relief measures are implemented in a risk-appropriate manner and target areas where current practice has been…

    Filed in German · English published by the European Commission

  83. SVDGV Statement: Ensuring Legal Certainty and Proportionality in the Classification of Software and AI-Based Medical Devices (MDR Reform, Annex VIII, Rule 11) The German Digital Healthcare Association (SVDGV) welcomes the Commission's proposal (COM(2025) 1023 final) to simplify the MDR and align software risk classification with actual patient risk. We raise two concerns: 1.

  84. VPH Society Position on In Silico Evidence in the revised MDR The Virtual Physiological Human (VPH) Society representing the scientific community strongly supports the explicit inclusion of in silico evidence (computational modelling, simulation, and New Approach Methodologies) across the medical device lifecycle in the revised EU MDR.

  85. The VÖWG warmly welcomes the initiative as it responds to key challenges for the protection of water resources and the long-term security of public water supply and sanitation. However, successful implementation requires water resilience to be addressed as a cross-sectoral task, problems to be solved at source as a matter of priority, and the polluter pays principle to be consistently applied.

    Filed in German · English published by the European Commission

  86. CDP Response to the European Commission Call for Evidence: Water Resilience Research and Innovation Strategy CDP runs the world's largest environmental disclosure system. Through its water security questions, CDP collects data from thousands of companies on water-related risks, opportunities, dependencies, impacts, governance, strategy and performance.

  87. The Institut de recherche pour le développement (IRD) welcomes the European Commission's initiative to develop a dedicated EU Water Resilience Research and Innovation Strategy. At a time when water-related challenges are becoming increasingly interconnected and systemic, the Strategy represents a unique opportunity to establish a coherent long-term framework capable of strengthening Europe's scientific leadership…

  88. The Institut de recherche pour le développement (IRD) welcomes the European Commission's initiative to develop a European Ocean Research and Innovation Strategy as a key pillar of the European Ocean Pact. At a time when marine and coastal ecosystems are increasingly affected by climate change, biodiversity loss, pollution and competing maritime uses, the Strategy represents a unique opportunity to establish a…

  89. JPI Oceans, via its Internal Advisory Committee, welcomes the development of the European Ocean Research and Innovation Strategy as a key contribution to achieving the objectives of the European Ocean Pact. The Strategy should build on existing European cooperation structures and ensure that scientific knowledge is effectively translated into policy, innovation and societal impact.

  90. Complementing OceanEye through transformative ocean science. The Ocean Sustainability Foundation welcomes OceanEye as an indispensable European capacity for observing, modelling and predicting the ocean. We propose to complement it, not replace it, through an "Ocean EyeS" approach.

  91. EPF strongly welcomes the proposal to strengthen passenger protection for multi-operator rail journeys. A key improvement is that full passenger rights reimbursement, re-routing, assistance, and compensation would apply to all journeys sold as a single ticket, provided minimum connection times are respected.

  92. Pearle* Live Performance Europe welcomes the Commissions proposals on rail ticketing and on the protection of passengers with single tickets. The proposals constitute an important step towards making cross-border rail travel more reliable and accessible, including for artists, technical professionals and other workers in the live performance sector who regularly travel across Europe under fixed and time-sensitive…

  93. The RATP group supports the provision of rail services enabling the largest number of users to travel. For the services covered by this Regulation, in line with the position taken by UITP Europe (the International Union of Public Transport), to which it subscribes, the RATP Group draws attention to the need for a shared objective of supporting the lattractivity of regional and long-distance rail networks, while at…

    Filed in French · English published by the European Commission

  94. forum anders reisen e.V. Association for Sustainable Tourism strongly welcomes the European Commissions legislative proposals aimed at advancing multimodal digital mobility services, improving access to rail distribution systems and strengthening passenger rights for multimodal journeys. These initiatives constitute a necessary condition for achieving the European climate and mobility objectives.

  95. EPF strongly supports the objective of enabling passengers to find, compare, combine and purchase rail tickets through the channel of their choice. The proposal pursues this through two complementary approaches: requiring railway operators to provide ticketing content including discounts , and real-time data to online ticketing providers; and obliging dominant vertically integrated rail platforms to display and sell…

  96. RG

    RATP Group

    filed 31 Jul 2026 on Rail ticketing Company

    The RATP group supports the objective pursued by the European Commission of facilitating travellers’ access to simpler, more readable, more multimodal and more sustainable mobility solutions. The possibility of searching for, comparing and reserving journeys combining several modes is an important lever for increasing the lattractivity of collective transport and encouraging a modal shift.

    Filed in French · English published by the European Commission

  97. [Please refer to the full position paper attached]. The CADA can reduce the EUs structural dependence on non-European digital providers. But it will strengthen European digital sovereignty only if cloud, AI and data centre infrastructure is planned within Europes energy and climate transition.

  98. Lubin, 29th July 2026 ZPPM / 36S / VII / 2026 European Commission Directorate-General for Internal Market, Industry, Entrepreneurship and SMEs DG GROW Unit I.1. Raw Materials Policy, Energy Intensive Industries Breydel, Avenue dAuderghem 45 / [address removed]/Brussel PO Box 1049 Belgium Call for evidence / Public consultation Proposal for a regulation: Ref.

  99. The Finnish Mining Association (FinnMin) welcomes the European Commissions initiative to establish a European Critical Raw Materials Centre (CRMC). The Centre has the potential to become an important instrument for implementing the Critical Raw Materials Act (CRMA). However, the Centre should not evolve into another coordinating body or information platform. Europe already possesses considerable analytical capacity.

  100. The World Resources Institute (WRI) is a global research organisation working to improve peoples lives, protect nature and halt climate change. The WRI Polsky Center for the Global Energy Transition delivers pragmatic, scalable and urgently needed solutions to achieve a clean, abundant, affordable and reliable energy future.

  101. Kaspersky welcomes the European Commissions initiative to strengthen Europes computing infrastructure through the proposed Cloud and AI Development Act (CADA). As a global cybersecurity company operating across Europe and internationally, we support the European Commissions objective to expand sustainable computational capacity, strengthen Europes competitiveness in artificial intelligence, and improve the…

  102. As the voice of the Spanish Savings and Retail Banks, CECA represents 43% of the Spanish market mortgages; 35% of its retail credit; 38% of its retail deposit and more than 1 billion euros invested in social activities.

  103. IAAPA, the global association for the attractions industry, welcomes the European Commissions initiative to update Regulation (EU) No 692/2011. Reliable, comparable and timely data are essential for evidence-based policymaking, effective destination management and a better understanding of tourisms contribution to local and regional economies.

  104. Please find enclosed the contribution of the Fédération Française d’Equitation highlighting the need for European statistics on equestrian tourism to make the economic and social weight of these activities more visible.

    Filed in French · English published by the European Commission

  105. The European Cyclists' Federation (ECF) welcomes the opportunity to contribute to the Call for evidence for an update of Regulation (EU) No 692/2011 of 6 July 2011 concerning European statistics on tourism. Given the role of cycling tourism as a strategic European sector within the tourism industry, as stated in the European Parliament resolution from 28 April 2026 on enhancing connectivity, preserving cultural…

  106. EAACA supports the proposed delegated Regulation and welcomes the continuation of the classification-without-testing principle for materials with a stable and predictable reaction-to-fire performance. We nevertheless propose clarifying Row 3 of Table 1.

  107. Eurodom, an association representing socio-occupational organisations in the French outermost regions, warmly welcomes the public consultation launched by the European Commission to amend Regulation (EU) 2021/1139 establishing the European Maritime, Fisheries and Aquaculture Fund (EMFAF).

    Filed in French · English published by the European Commission

  108. ANMUPESCA is the National Association of Fisheries Women. It currently brings together 40 integrated associations and represents more than 25.000 women from different areas of the fisheries and aquaculture value chain: fishing, shellfishing, net repair, aquaculture, processing, marketing, fishmongers and other activities related to the sector.

    Filed in Spanish · English published by the European Commission

  109. ClientEarth welcomes the opportunity to provide feedback on the European Commissions call for evidence regarding the amendment of the European Maritime, Fisheries and Aquaculture Fund (EMFAF) Regulation (EU) 2021/1139. Please find attached the full contribution of ClientEarth this call for evidence.

  110. EURAMETs European Metrology Network on Safe and Sustainable Food (EMN SFF) welcomes the science-based update of the protective measures established by Implementing Regulation (EU) 2019/2072. The draft introduces new Union quarantine pests, changes the regulatory coverage of Begomoviruses, sets import requirements for certain citrus fruit and wood products, and corrects scientific names and terminology.

  111. The Open Source Security Foundation (OpenSSF) welcomes the review of the European Interoperability Framework (EIF) and supports its objectives of strengthening interoperability, digital sovereignty, resilience and competitiveness. While the Call for Evidence rightly emphasizes resilience and trust, it gives comparatively little attention to the cybersecurity dimension needed to achieve these objectives.

  112. The European Committee for Interoperable Systems (ECIS) is an international non-profit association founded in 1989 that endeavours to promote a favourable environment for interoperable ICT solutions. We actively represent our members regarding issues related to interoperability and competition before European and international fora.

  113. Linux Foundation Europe welcomes the opportunity to provide feedback on the review of the European Interoperability Framework (EIF), which has the potential of supporting open, resilient, and collaborative digital public infrastructure.

  114. Giesecke+Devrient (G+D) and its subsidiary Veridos GmbH generally welcome the proposed Implementing Regulation and supports the establishment of a common European framework for mobile driving licences. In particular, we welcome the focus on interoperability and trustworthiness.

  115. Confebus takes note of the European Commission’s proposal for an implementing regulation for the development of a mobile driving licence at European level, and considers it a significant step towards more digital, efficient, safe and interoperable mobility across the European Union. However, we attach a document with contributions to be taken into account for this procedure.

    Filed in Spanish · English published by the European Commission

  116. Der Bundesverband Carsharing (bcs) begrüßt den Entwurf der Europäischen Kommission zur technischen Ausgestaltung des digitalen Führerscheins (mobile Driving Licence mDL) ausdrücklich. Ein europaweit interoperabler, datensparsamer und maschinenlesbarer digitaler Führerschein bietet erhebliche Potenziale für digitale Mobilitätsdienste wie Carsharing und kann bestehende Prozesse sicherer und nutzerfreundlicher…

  117. TNO

    Thank you for the opportunity to share our feedback. Multiple improvements and positive points to mention. Including a focus on demand side; important, though let's realize that it will take time to have the desired impact. Small question: I wonder how non-EU demand might be included in the methodology. Europe is famous for its high-tech equipment and materials.

  118. Christian Council International (CCI) appreciates the opportunity to provide feedback on the EU Anti-Corruption strategy. In the attached document, we highlight the importance of accountability and transparency in the field of addressing corruption in the European Union related to funding for sexual and reproductive health and rights and the advancement of rights associated with diverse sexual orientations, gender…

  119. LAfep, the Association of Large French Companies, would like to thank the European Commission for this consultation. French businesses fully agree with the European Commissions assessment that an effective and ambitious anti-corruption strategy is needed.

  120. A risk-based European strategy focused on the effectiveness of rules and the recognition of integrity frameworks The future European anti-corruption strategy should be structured around three complementary priorities: a risk-based approach, better enforcement of existing rules, and recognition of the most mature integrity frameworks.

  121. The Fundacja na rzecz Kobiet i Planowania Rodziny (FEDERA) welcomes the European Commissions initiative to update the minimum training requirements for midwives under Directive 2005/36/EC. As an organisation working on sexual and reproductive health and rights, reproductive justice and gender equality in Poland, we recognise the essential role that midwives play in improving health outcomes for women, newborns…

  122. The Standing Committee of European Doctors (CPME) welcomes the European Commissions proposal to revise and update the minimum training requirements for selected medical specialties listed in Annex V of Directive 2005/36/EC. Medical specialist training must keep pace with the growing complexity of clinical practice, scientific developments, technological innovation, digitalisation, and evolving patient needs.

  123. The proposed training of midwives in the amendment of the European Directive is not in line with reality and does not fully reflect the breadth of competences currently exercised by midwives and the evolution of the profession in recent decades.

    Filed in Spanish · English published by the European Commission

  124. As Europe's largest centre dedicated to finding, assessing and securing the removal of online child sexual abuse material (CSAM), the Internet Watch Foundation sees first-hand the scale and evolution of CSA online. In 2025, IWF analysts actioned more than 311,000 reports confirmed to contain or lead to CSAM. 63% of the URLs actioned were hosted in the EU. The nature of online CSA is changing.

  125. The Standing Committee of European Doctors (CPME) represents national medical associations across Europe. We are committed to contributing the medical professions point of view to EU and European policy-making through pro-active cooperation on a wide range of health and healthcare related issues. Children across the EU face a serious risk of falling victim to crime or being recruited into crime, online and offline.

  126. The European Forum for Restorative Justice (EFRJ) welcomes the European Commissions initiative to develop an EU Action Plan on the Protection of Children against Crime. We support the Action Plans focus on prevention, protection and support for child victims, responses to child perpetrators, and child-centred multidisciplinary cooperation.

  127. The Henri Capitant Association and the Foundation for Continental Law welcome the initiative of the European Commission to create an optional regime for a European Company within the Union. While this proposal is a real step forward in completing the single market, it contains a number of regrettable choices borrowed from Delaware law and some shortcomings.

    Filed in French · English published by the European Commission

  128. Companies need to set up and scale faster across Europe. We applaud the Commission for getting much of the set up part right: fast, digital, and low-cost procedures will help SMEs across the bloc. However, on scaling, much more needs to be done if the EU Inc framework is to be a truly European alternative to Delaware.

  129. Social Economy Europes contribution to the public consultation on the 28th Regime corporate legal framework EU Inc. Social Economy Europe welcomes the European Commissions proposal for a 28th Regime corporate legal framework EU Inc. as an important step towards a simpler, more integrated and more competitive Single Market.

  130. Anthropic is an AI safety and research company working to build reliable, interpretable, and steerable AI systems. We welcome the opportunity to respond to this call for evidence on the EU copyright framework. Advanced AI holds transformative potential as an engine of productivity and scientific progress across the EU - with the capacity to compress decades of advancement into years and accelerate discovery across…

  131. Joint submission of challenger search engines to the call for evidence on the review of the Copyright Directive DuckDuckGo, Ecosia, Startpage We are companies operating privacy-respecting, challenger search engines in the EU.

  132. 1. Approach to consultation on the state of play on digital piracy of time-sensitive content. The Coalition highly appreciates that the Commission, in the current Call for Evidence, goes beyond the narrow approach that had so far characterised its action in this area and addresses online piracy not only with regard to live events, but also with regard to the broader category of time-sensitive content.

    Filed in Spanish · English published by the European Commission

  133. FOUR PAWS supports efforts to preserve local slaughter capacity where it contributes to shorter supply chains and better welfare for animals in the final stages. However, any reduction in the physical presence of Official Veterinarians (OVs) and any change in how post-mortem inspections are performed must not compromise animal welfare and public health.

  134. UECBV welcomes and supports the Commissions efforts to adapt the ante- and post-mortem inspections to the logistical challenges faced by slaughterhouses. At the same time, UECBV calls for a further extension of these measures while ensuring the economic and operational sustainability of the meat industry sector through transparency, coordination and proportionate costs for operators.

  135. The Federal Chamber of Veterinarians (Bundestierärztekammer – BTK) welcomes in principle the European Commission’s efforts to take into account and legally enshrine modern digital technologies, including video applications and artificial intelligence processes, to support official controls in the area of ante-mortem and post-mortem inspections.

    Filed in German · English published by the European Commission

  136. FOUR PAWS welcomes the ECs efforts to support the viability of local slaughterhouses. Decentralised systems can reduce transport times, stress for animals, and contribute to lowering the spread of infectious diseases by avoiding highly concentrated production and long transport chains. Ensuring local capacity is therefore critical for both animal welfare and biosecurity resilience.

  137. UECBV supports the Commissions efforts to facilitate inspections through the integration of data generated by computer-based technologies. UECBV also encourages further progress in this area, for example by extending the use of computer-based technologies to a broader range of applications, such as animal welfare controls, while ensuring the economic and practical sustainability of the meat industry.

  138. The Federal Chamber of Veterinarians (Bundestierärztekammer – BTK) welcomes in principle the European Commission’s efforts to take into account and legally enshrine modern digital technologies, including video applications and artificial intelligence processes, to support official controls in the area of ante-mortem and post-mortem inspections.

    Filed in German · English published by the European Commission

  139. The European Association of National Metrology Institutes (EURAMET) welcomes the opportunity to provide input to the European Commissions (EC) initiative to accelerate digitalisation for water management through three pillars: AI-driven big data, large-scale Internet-of-Things deployment and routine Earth observation.

  140. Saur strongly supports the European Commissions ambition to accelerate the digitalisation of the water sector, which we consider a key enabler to achieve the objectives of the European Water Resilience Strategy.

  141. The EEB welcomes the opportunity to respond to the Call for Evidence on the digitalization of the water sector, which is one of the flagship actions of the Water Resilience Strategy. The EEB recommends to only promote those digital solutions where the potential benefits for water protection and resilience clearly outweigh the negative impacts stemming from digital infrastructure, such as data centres.

  142. The European Association of National Metrology Institutes (EURAMET) is the Regional Metrology Organisation (RMO) of Europe with 38 member countries. It promotes European co-operation in the field of metrology for the development and application of measurement science and standards, and a globally recognised measurement infrastructure.

  143. The Spanish Cars and Trucks manufacturers’ Association (ANFAC) welcomes the opportunity to provide feedback on the proposed Euro 7 secondary legislation for light-duty vehicles, particularly the amendment to Regulation (EU) 2025/1706 addressing battery durability, low-temperature electric vehicle range, and system power determination.

    Filed in Spanish · English published by the European Commission

  144. ESCA supports the Commission's objective of establishing a harmonised and proportionate framework for battery durability type-approval, building on international regulatory developments, including the latest amendments to UN Regulation No. 154 and UN Regulation No. 83.

  145. The upcoming Euro 7 regulation introduces brake particle emission limits for passenger cars and light commercial vehicles, with requirements taking effect in November 2026. As a Tier 1 automotive supplier with a broad aftermarket portfolio, the current state of the implementing regulation raises significant concerns that must be addressed.

  146. The Bosch Group, a supplier of a comprehensive portfolio of braking components to the independent aftermarket, supports the objective of establishing a harmonized framework for measuring and mitigating brake particle emissions. To ensure a smooth transition to Euro 7 standards by 29 November 2026, establishing a workable regulatory framework specific to the aftermarket is vital.

  147. The Federation of European Manufacturers of Friction Materials (FEMFM) supports the environmental objectives of Regulation (EU) 2024/1257 (Euro 7) and the creation of a harmonised framework for brake particle emissions. Nevertheless, the proposed implementing regulation does not sufficiently address the requirements of independent aftermarket friction material manufacturers.

  148. The recent State of EU fisheries report is unequivocal: Minimising negative impacts of fishing on the marine environment, its habitats and species must continue in order to safeguard the very basis of fisheries prosperity. This imperative must lead any discussion on a potential Fisheries Omnibus on Multiannual Plans (MAPs).

  149. Dear DG MARE, Thank you for this opportunity to contribute to the fisheries Omnibus and MAPs discussions. As you know, or should know, we, the European Anglers Alliance (EAA), have for many years criticised the management of EU fisheries for being generally too lenient with regard to the protection of the environment and sustainable use of the fish stocks.

  150. In the document attached to this reply, the Comité National des Pêches Maritimes et des Elevages Marins (CNPMEM), representing all French professional fishing activities, shares its views on three key points: Its opposition to the downgrading to biological status of the ‘most vulnerable stock’ of the multiannual plan for the western Mediterranean, its request for the removal of the ‘5 % rule’ present in the other…

    Filed in French · English published by the European Commission

  151. The United Services Trade Union (ver.di) is in principle in favour of introducing a common training framework/common training framework (CTF) for physiotherapists in the European Union (EU). A CTF is an important step to further strengthen the free movement of physiotherapists within the EU. This requires that the diversity of education systems across the EU is fully taken into account.

    Filed in German · English published by the European Commission

  152. While the French National Council of the Order of Physiotherapists (Conseil national de lordre des masseurs-kinésithérapeutes CNOMK), through the organisation of an event endorsed by the French Presidency of the Council of the European Union (PFUE) during the first half of 2022 and through the facilitation of working groups over several months on this topic, has supported the work undertaken by the European…

  153. The DSV warmly welcomes the European Commission’s initiative to introduce a common European training framework for physiotherapists (CTF) and the corresponding presentation of the draft delegated directive. This approach can simplify and speed up recognition procedures for physiotherapists and facilitate access for qualified foreign professionals to the respective European health systems, including the German health…

    Filed in German · English published by the European Commission

  154. The Austrian Social Insurance welcomes the European Commissions commitment towards improving the daily lives of its citizens, as envisioned by the planned Omnibus. In this vein, we generally support the Commissions efforts regarding the simplification of unnecessary administrative burdens in EU legislation, thus also following the recommendations by the Letta report and appreciate all digitalisation efforts which…

  155. Response to citizens omnibus The European Federation of Public Service Unions (EPSU) represents 8 million public service workers across Europe. We are the strong trade union voice that workers need, whether thats with employers, the European Parliament, the Commission or national governments.

  156. Autism-Europe welcomes the European Citizens Omnibus initiative in its aims to reduce the administrative complexities associated with availing of EU services and moving between different EU member states. While we support the EUs efforts to remove existing barriers for people living in the EU, we stress that simplification shouldnt not lead to lower standards for Persons with Disabilities.

  157. Nucleareurope, the Brussels-based Association representing the European nuclear industry, welcomes the European Commissions evaluation of the two core Euratom instruments governing radioactive waste management and shipments. From the perspective of the European nuclear industry, both Directives remain fit for purpose.

  158. We, the 12 undersigned European environmental NGOs, welcome the opportunity to submit our suggestions for amending the Nuclear Waste Directive. This Directive is per se a valuable driver for improvement of the management of spent fuel and radioactive waste in the EU, but it has some shortcomings.

  159. In DeepGEO Finlands opinion both the existing radioactive Waste Directive and Shipment Directive remain effective overall. However, there are some areas which would benefit from being updated. For the Waste Directive, the whereas section might note more recent developments such as: - the EU HARPERS project (concluded 2025) and its main findings.

  160. RECHARGE position on the proposed Industrial Accelerator Act June 2026 The Industrial Accelerator Act marks a decisive shift in EU industrial policy, introducing Union preference and binding FDI conditions into law for the first time. While this is a strong and welcomed step forward, significant loopholes remain. Closing these gaps is essential to fully unlock and scale a resilient European battery value chain.

  161. Following the presentation by the European Commission of the Proposal for a new European Legislative Act for Industrial (Decarbonisation) Acceleration, the APQuímica Associação Portuguesa da Química, Petroquímica e Refinação (Portuguese Chemical, Petrochemical and Refination Association) would like to thank you for the opportunity to participate and systematises in the attached document a set of reflections and…

    Filed in Portuguese · English published by the European Commission

  162. June 2026 Response to the European Commission’s Call for Feedback on the Industrial Accelerator Act The U.S. Chamber of Commerce ( “the Chamber ”) welcomes the opportunity to respond to the European Commission's consultation on the proposed Industrial Accelerator Act ( “IAA ”). The U.S.

  163. About this submission Headquartered in Brussels, and with 66% of its staff in Europe, Eclipse Foundation AISBL is Europes largest open source code-hosting foundation hosting over 400 open source projects that European industry relies on spanning cloud, IoT, automotive, AI, and developer technologies. 1. Scope 2. Alignment with open source and EU digital strategies 3. Inclusion of open source in procedures 4.

  164. I am writing on behalf of libraries and research institutions across Europe, which have the mission to enable members of their communities to access knowledge, participate in cultural life and enjoy their cultural rights. Libraries, through their regular contact with researchers and readers, observe the impacts of a situation in Europe.

  165. For people to stay, schools, and jobs, and shops and health services (and much more) must also stay. But staying is not enough, convenient and affordable access is also a key condition. And access depends not only on some degree of physical proximity, but also on the means available to reach the service provided (or to have the service reach the users).

  166. Smart Village Network Services Statement on the Right to Stay Small rural communities are at the very heart of securing the Right to Stay. They are the places where the question of whether one can build a future at home is felt most acutely.

  167. PP

    The Protein Project - Input to the Biotech Act II Call for Evidence The Protein Project is a Brussels-based NGO with a mission to move the protein debate from polarisation to progress. We convene pragmatic, value-chain-wide coalitions and translate shared roadmaps into concrete, politically realistic EU policy recommendations.

  168. Food Biomanufacturing as Strategic Infrastructure: Regulatory Simplification, Lead Markets, Regulatory Dialogue and Investment Architecture for European Food Biomanufacturing The Biotech Act II Call for Evidence identifies four intervention areas: creating lead markets, investment predictability, sustainability criteria, and simplification.

  169. The PRECISEU consortium welcomes the continuation of the European Biotech Act framework through the development of Biotech Act II, building on the initial initiative which PRECISEU also supported. We see this as a critical step forward and look with strong interest towards its effective implementation. The challenges identified in the Call for Evidence are fully aligned with the experience emerging from PRECISEU.

  170. We welcome the opportunity to provide our views to the European Commission consultation on the draft Implementing Act (IA) on carbon prices paid in third countries under the EU Carbon Border Adjustment Mechanism (CBAM).

  171. While Fertilizers Europe supports equal treatment and level playing field for EU producers and foreign exporters of CBAM goods alike, we consider this proposal premature in some aspects. For reasons set out in the attached consultation response, Fertilizers Europe calls on the European Commission to delay adoption of provisions on carbon credits and offsets until EU rules for EU installations are adopted, introduce…

  172. Sandbag welcomes the opportunity to contribute to the public consultation on the European Commissions proposed implementing regulation (IR), under the CBAM regulation, on the carbon price paid in third countries.

  173. Carbon Management Europe (previously known as Zero Emissions Platform) welcomes the opportunity to provide feedback on the proposed revision of the benchmark values for the free allocation of emission allowances under the EU ETS between 2026-2030.

  174. Fertilizers Europe thanks the Commission for the opportunity to comment on the proposed EC implementing regulation determining revised benchmark values for free allocation of emission allowances for the period 2026 to 2030. Our comments are in the attached document.

  175. **Opinion on the update of the EU ETS benchmarks** Medium-sized energy-intensive industry in Germany is facing a historically unprecedented crisis. High energy costs, additional CO costs, regulatory burdens and persistent uncertainties threaten Europe’s competitiveness, investment capacity, employment and industrial value creation.

    Filed in German · English published by the European Commission

  176. Bisphenols Europe, representing EU manufacturers of BPA, BPS and BPF, fully supports the objective of protecting childrens health and safety. To ensure this objective is achieved effectively, the proposed REACH restriction would benefit from further refinement to improve clarity, consistency and proportionality. Main concerns.

  177. Toy Industries of Europe (TIE) are grateful for the opportunity to comment on the Commissions proposed restriction on childcare articles under the REACH Regulation. Since toys are a product category that is adjacent to childcare articles, and in some cases, products may sit in a grey zone between the two, it is important to clarify that toys are entirely covered by requirements in specific legislation and are out of…

  178. textil+mode supports the objective of protecting children from CMR 1A/1B substances in childcare products. Our comments therefore do not concern the objective of the proposal, but its practical implementation. As set out in the attached statement, the proposed restriction should be revised to ensure that it can be implemented by companies and enforced by authorities.

  179. NATS welcomes the opportunity to comment on the proposed amendment to EU Regulation (EU) 2015/1018 laying down a list classifying occurrences in civil aviation to be mandatorily reported. NATS is the United Kingdoms main air navigation service provider (ANSP). We provide en-route air traffic services in UK airspace and by delegation from EEA ANSPs also in adjacent airspace volumes within the EEA.

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Source: European Commission “Have Your Say”. Quotes are verbatim from each organization’s own submission; where one was filed in another EU language we show the English the Commission publishes alongside it, labelled on the quote. Organizations only, never individuals.